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A private letter ruling is issued by the IRS Office of Chief Counsel; the Large Business and International Division; Small Business/Self Employed Division, Wage and Investment Division; and the Tax Exempt and Government Entities Division.
Ing to Letter Ruling 7233, an out-of-state business that uses a Missouri supplier may use an out-of-state resale certificate to purchase items for resale tax free.
A letter ruling binds both the IRS and the requesting taxpayer (in the event the matter is further disputed or litigated) but only those parties, so the ruling may not be relied on as precedent by other taxpayers.
If you would like to receive a binding determination concerning the specific facts of your situation, submit a Request for Letter Ruling (Form 5859 Document). Any taxpayer may request a binding letter ruling. You must follow specific rules when making your request.
A private letter ruling, or PLR, is a written statement issued to a taxpayer that interprets and applies tax laws to the taxpayer's represented set of facts. A PLR is issued in response to a written request submitted by a taxpayer. A PLR may not be relied on as precedent by other taxpayers or by IRS personnel.